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Oil and Gas Maintenance, Startup, and Shutdown New PBR §106.359 Erin Selvera, J.D., Special Assistant Air Permits Division Texas Commission on Environmental Quality Oil and Gas Workshop 2013. Erin Selvera, J.D., Special Assistant Air Permits Division Texas Commission on Environmental Quality
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Oil and Gas Maintenance, Startup, and ShutdownNew PBR §106.359Erin Selvera, J.D., Special AssistantAir Permits DivisionTexas Commission on Environmental QualityOil and Gas Workshop 2013 Erin Selvera, J.D., Special Assistant Air Permits Division Texas Commission on Environmental Quality Oil and Gas Workshop 2013
Overview • Why did we create the rule? • How did we create the rule? • What does the rule require? • How to use the rule with an existing construction authorization? • What else should you consider when authorizing MSS? • Are there any tools or guidance to help?
What Did We Use to Create §106.359? • Research and evaluation • Oil and gas registrations claiming MSS emissions • Complaint response investigation reports • Monitoring data in areas with high density OGS • Other states’ approaches to MSS • Suma canister sample results • Stakeholder input • Site visits
What Does the Rule Require? Rule Breakdown (§106.359) A. Applicability B. Activities and Facilities C. Best Management Practices
Applicability • Use §106.359 with: • §106.352(l) or its predecessors • §106.492 Flares • §106.512 Stationary Engines and Turbines • §116.620 Standard Permit Installation and/or Modification of Oil and Gas Facilities • Case-by-case NSR permits – in certain circumstances • At Title V sites
Applicability • Use a different authorization mechanism for MSS if you are using one of these construction authorizations: • §106.355 Pipeline Metering, Purging, and Maintenance • §106.352 (a)-(k) Barnett Shale PBR • Subsections (a)-(k) Non-Rule Standard Permit • Case-by-case NSR permits – in certain circumstances
Activities and Facilities • MSS activities can be broken into two groups • Lower emitting activities and facilities in (b)(1)-(6) • Activities and facilities with the potential for higher levels of emissions (b)(7)-(10)
Lower Emitting Activities (1) engine, compressor, turbine, and other combustion facilities maintenance; (2) repair, adjustment, calibration, lubrication, and cleaning of site process equipment; (3) replacement of piping components, pneumatic controllers, boiler refractories, wet and dry seals, meters, instruments, analyzers, screens, and filters; (4) turbine or engine component swaps; (5) piping used to bypass a facility during maintenance; (6) planned MSS activities with the same character and quantity of emissions as those listed in paragraphs(1-5) of this subsection;
Higher Emitting Activities (7) pigging and purging of piping; (8) blowdowns; (9) emptying, purging, degassing, or refilling of process equipment, storage tanks and vessels (except landing floating roof tanks for convenience purposes), if subparagraphs (A-C) are met; (10) abrasive blasting, surface preparation, and surface coating of facilities and structures.
Best Management Practices • Facilities must be maintained in good condition and operated properly • Develop a Maintenance Program to address • cleaning and routine inspection of all equipment • repair of equipment • training for appropriate personnel • records of conducted planned MSS activities
Other Requirements • §106.4 emission limits • §106.8 recordkeeping requirements • Other requirements if in a nonattainment area PBR NSR
What Else Should You Consider When Authorizing MSS? • Make sure what you are trying to authorize is really MSS • Check your calculations for both MSS emissions and production emissions if using all PBRs • Claim the PBR • No Registration Required = No Fees • Certify if needed
Guidance and Tools • Default number for lower emitting activities and facilities • Calculation Spreadsheet • Maintenance Program Templates • FAQs • MSS specific workshops
For More Information • www.texasoilandgashelp.org • Sign up for e-mail updates: Oil and Gas Compliance-Resources Updates • airog@tceq.texas.gov • Air Permits main line: (512) 239-1250 Erin Selvera 512-239-6033 erin.selvera@tceq.texas.gov